Bitcoin Financial Regulation: Securities, Derivatives, Prediction Markets, and Gambling Jerry Brito Jerry.Brito@Nyls.Edu

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Bitcoin Financial Regulation: Securities, Derivatives, Prediction Markets, and Gambling Jerry Brito Jerry.Brito@Nyls.Edu digitalcommons.nyls.edu Faculty Scholarship Articles & Chapters 2014 Bitcoin Financial Regulation: Securities, Derivatives, Prediction Markets, and Gambling Jerry Brito jerry.brito@nyls.edu Houman B. Shadab New York Law School Andrea Castillo Follow this and additional works at: http://digitalcommons.nyls.edu/fac_articles_chapters Part of the Banking and Finance Law Commons, Business Organizations Law Commons, Commercial Law Commons, and the Consumer Protection Law Commons Recommended Citation 16 Colum. Sci. & Tech. L. Rev. 144 (2014-2015) This Article is brought to you for free and open access by the Faculty Scholarship at DigitalCommons@NYLS. It has been accepted for inclusion in Articles & Chapters by an authorized administrator of DigitalCommons@NYLS. 144 COLUM. SCI. & TECH. L. REV [Vol. XVI THE COLUMBIA SCIENCE & TECHNOLOGY LAW REVIEW VOL. XVI STLR.ORG FALL 2014 ARTICLE BITCoIN FINANCIAL REGULATION: SECURITIES, DERIVATIVES, PREDICTION MARKETS, AND GAMBLINGt Jerry Brito*, Houman Shadab,** and Andrea Castillo*** The next major wave of Bitcoin regulation will likely be aimed at financial instruments, including securities and derivatives, as well as prediction markets and even gambling. While there are many easily reglated intermediaries when it comes to traditional securities and derivatives, emerging bitcoin- denominated instruments rely much less on traditional intermediaries such as banks and securities exchanges. Additionally, the block chain technology that Bitcoin introducedfor thefirst time makes completely decentralized markets and exchanges possible, thus eliminating the need for intermediaries in complex financial transactions. In this Article we surey the type of financial instruments and transactions that will most likely be of interest to regulators, including traditional securities and derivatives, new bitcoin-denominatedinstruments, and completely decentralized markets and exchanges. We find that Bitcoin derivatives would likely not be subject to thefull scope ofregulation under the Commodity Exchange Act to the extent that such derivatives involve physical delivey (as opposed to cash settlement) or are non-fungible and not independently traded. We alsofind that t This Article may be cited as http://www.stlr.org/cite.cgi?volume=16& article=4. This work is made available under the Creative Commons Attribution- Non-Commercial-No Derivative Works 3.0 License. * Executive Director, Coin Center.J.D., George Mason University School of Law, 2005; B.A., Political Science, Florida International University, 1999. The authors would like to thank Eli Dourado, Patrick O'Sullivan, and Jeff Garzik for their thoughtful input andJacob Hamburger for his research assistance. ** Professor of Law, New York Law School. B.A. 1998, University of California at Berkeley;J.D. 2002, University of Southern California. *** Research Associate, Mercatus Center at George Mason University. B.S., Economics, Florida State University, 2011. 2014] BITCOIN FINANCIAL REGULATION 145 some laws, including those aimed at online gambling, do not contemplate a payment method like Bitcoin, thus placing many transactionsin a legalgray area. Following the approach to virtual currencies taken by the Financial Crimes Enforcement Network, we argue that other financial regulators should consider exempting or excluding certain financial transactions denominated in Bitcoin from the full scope of their regulations, much like private securities offerings andforward contracts are treated. We also sugest that to the extent that regulation and enforcement becomes more costly than its benefits, policymakers should consider and pursue strategies consistent with that new reality, such as efforts to encourage resilience and adaptation by existing institutions. TABLE OF CONTENTS I. Introduction 146 II. Bitcoin and the First Wave of Regulation ........ ........ 147 A. Bitcoin in Brief. ........................ ...... 147 B. The First Wave of Regulation ........... ........... 150 III. Regulation of Bitcoin-Related Financial Instruments............ 155 A. Bitcoin Derivatives. ...................... ..... 155 1. Futures ................................... 159 2. Forwards ................................ 163 3. Swaps ........................ ....... 167 4. Options .................................. 171 B. Bitcoin Securities ............................... 172 1. Bitcoin Funds.................... ........ 173 2. Bitcoin Margin Trading ............ ...... 178 C. Bitcoin-Denominated Instruments & Gambling ............ 181 1. Bitcoin-Denominated Derivatives and M arkets ............ 182 2. Bitcoin-Denominated Securities and Exchanges. .............................. 186 3. Regulatory Issues Facing Bitcoin- Denominated and "Bitcoin-Economy" Transactions ..................................193 4. Prediction Markets & Gambling ...... ...... 196 IV. Decentralized Markets and Exchanges ................ 205 A. Decentralized Ledger Transactions ............... 206 B. Decentralized Applications ................ ..... 210 1. Securities Exchanges .................... 211 2. Predictions Markets ................ ..... 213 3. Gambling............................ 215 146 COLUM. SCI. & TECH. L. REV [Vol. XVI C. Law and Decentralization ................. ..... 216 V. Conclusion..................................... 221 I. INTRODUCTION Bitcoin presents a unique challenge to policymakers. On the one hand, because it is an open protocol and a decentralized network, there is no company or central server that can be regulated. On the other hand, there are a number of emerging new intermediaries operating on the Bitcoin network that are certainly susceptible to regulation and enforcement. These include exchanges, merchant processors, and money transmitters that provide Bitcoin services to consumers. To date, Bitcoin-related regulation has largely been focused on the application of "know your customer," anti-money-laundering rules, as well as consumer protection licensing, on these new intermediaries. The next major wave of Bitcoin regulation will likely be aimed at financial instruments, including securities and derivatives, as well as prediction markets and even gambling. While there are many easily regulated intermediaries when it comes to traditional securities and derivatives, emerging bitcoin-denominated instruments rely much less on traditional intermediaries. Additionally, the underlying block chain ledger technology that Bitcoin introduced for the first time makes completely decentralized markets and exchanges possible, thus eliminating the need for intermediaries in complex financial transactions. In this Article we survey the type of financial instruments and transactions that will most likely be of interest to regulators, including traditional securities and derivatives, new bitcoin- denominated instruments, and completely decentralized markets and exchanges. We find that bitcoin derivatives would likely not be subject to the full scope of regulation under the Commodity Exchange Act to the extent that such derivatives involve physical delivery (as opposed to cash settlement) or are non-fungible and not independently traded. We also find that some laws, including those aimed at online gambling, do not contemplate a payment method like Bitcoin, thus placing many transactions in a legal gray area. Following the approach to virtual currencies taken by the Financial Crimes Enforcement Network, we argue that other financial regulators should consider exempting or excluding certain financial transactions denominated in Bitcoin from the full scope of their regulations, much like private securities offerings and forward 2014] BITCOIN FINANCIAL REGULATION 147 contracts are treated. We also suggest that to the extent that the cost of regulation and enforcement grows to outweigh its benefits, policymakers should consider and pursue strategies consistent with that new reality, such as efforts to encourage resilience and adaptation by existing institutions. This Article is structured as follows. Part I presents a brief sketch of Bitcoin technology and describes the first wave of Bitcoin- related regulation. Part II analyzes the legal treatment of traditional securities and derivatives that are either bitcoin-backed or which have bitcoins as the underlying asset, as well as non-traditional bitcoin-denominated securities, derivatives, prediction markets, and gambling. Finally, Part III considers the implications of completely decentralized markets and exchanges made possible by Bitcoin and other emerging technologies. II. BITCOIN AND THE FIRST WAVE OF REGULATION Bitcoin is an Internet protocol, a peer-to-peer network, software client, and a digital currency unit. Following the protocol, the network maintains a global public ledger that records Bitcoin transactions. As we will see in later sections, there are many different applications that this technology enables. To date, however, it is the simple payments and money transfer that has captured the public's imagination, and therefore that is what has drawn regulators' attention. In this section we will present a brief overview of Bitcoin as a payments or money transfer system, and the first wave of regulation that addressed those applications. A. Bitcoin in Brief Bitcoin is frequently described as a "digital currency."' While that description is accurate, it can be misleading as it is both too broad and too narrow. It is too broad because Bitcoin is a very particular kind of digital currency called a cryptocurrency (indeed, it is the first of its kind).
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